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[Cites 9, Cited by 9]

Income Tax Appellate Tribunal - Kolkata

Sneha Choudhary , Kolkata vs Ito, Ward - 36(2), Kolkata , Kolkata on 5 October, 2018

                            IN THE INCOME TAX APPELLATE TRIBUNAL
                                KOLKATA 'SMC' BENCH, KOLKATA

                       (Before Sri J. Sudhakar Reddy, Accountant Member)

                                       ITA No. 1218/Kol/2018
                                      Assessment Year: 2014-15

Sneha Choudhary......................................................................................................................Appellant
Room No. 308
3rd Floor
30, Bentick Street
Kolkata - 700 001
[PAN : AAAHU 4655 D]
                                          Vs.

Income Tax Officer, Ward-36(2), Kolkata.......................................................................Respondent

Appearances by:
Shri Miraj D. Shah, A/R, appeared on behalf of the assessee.
Shri Biswanath Das, Addl. CIT, Sr. D/R. appearing on behalf of the Revenue.

Date of concluding the hearing : September 4th, 2018
Date of pronouncing the order : October 5th , 2018

                                         ORDER
Per J. Sudhakar Reddy, AM :-

This appeal filed by the assessee is directed against the order of the Learned Commissioner of Income Tax (Appeals)-10, Kolkata, (hereinafter the 'Ld. CIT(A)'), dt. 28th March, 2018, passed u/s 250 of the Income Tax Act, 1961 (hereinafter the 'Act'), relating to Assessment Year 2014-15.

2. The sole issue that arises for my adjudication is whether the Assessing Officer was right in rejecting the claim of the assessee that he had earned Long Term Capital Gains on purchase and sale of the shares of M/s. UNNO INDUSTRIES LTD. The AO based on a general report and modus operandi adopted generally in these cases and on general observations has concluded that the assessee has claimed bogus long term capital gain. He made an addition of the entire sale proceeds of the shares as income and rejected the claim of exemption made u/s 10(38) of the Act. The evidence produced by the assessee in support of the genuineness of the transaction was rejected.

3. The assessee carried the matter in appeal and the ld. CIT(A)-10, Kolkata, had upheld the addition. The ld. CIT(A) has in his order relied upon "circumstantial 2 ITA No. 1217/Kol/2018 Assessment Year: 2014-15 U C Choudhary & Others HUF evidence" and "human probabilities" to uphold the findings of the AO. He also relied on the so called "rules of suspicious transaction". No direct material was found to controvert the evidence filed by the assessee, in support of the genuineness of the transactions. In other words, the overwhelming evidence filed by the assessee remains unchallenged and uncontroverted. The entire conclusions drawn by the revenue authorities, are based on a common report of the Director of Investigation, Kolkata, which was general in nature and not specific to any assessee. The assessee was not confronted with any statement or material alleged to be the basis of the report of the Investigation Wing of the department and which were the basis on which conclusion were drawn against the assessee. Copy of the report was also not given.

4. Under the circumstances, in a number of cases this bench of the Tribunal has consistently held that decision in all such cases should be based on evidence and not on generalisation, human probabilities, suspicion, conjectures and surmises. We have in all cases deleted such additions. Some of the cases were detailed finding which are listed below :-

Sl.No ITA Nos. Name of the Assessee Date of order /Judgment
1. 1236-1237/K/17 Manish Kumar Baid & Others vs ACIT 18.08.2017 ITAT - Kolkata 2 443/Kol/2017 Kiran Kothari (HUF) vs ITO 15.11.2017
3. 22 of 2009 CIT, Kolkata-III vs Bhagwati Prasad Agarwal 29.04.2009 Calcutta High Court
4. 456 if 2007 CIT vs Shri Mukhesh Ratilal Marolia 07.09.2011 Bombay High Court
5. 18 of 2017 Punjab Pr. C.I.T. (Central)Ludhiana vs Sh.Hitesh 16.02.2017 and Haryana High Gandhi, Court
6. 95 of 2017 Pr. C.I.T. vs Prem Pal Gandhi 18.01.2018.

Punjab and Haryana High Court

7. 2281/Kol/2017 Navneet Agarwal, Legal Heir of Late Kiran 20.07.2018 ITAT - Kolkata Agarwal vs ITO,Ward-35(3),Calcutta 3 ITA No. 1217/Kol/2018 Assessment Year: 2014-15 U C Choudhary & Others HUF

5. I am bound by the proposition of law laid down in these case law. They are squarely applicable to the facts of the case. The ld. Departmental Representative, though not leaving his ground, could not controvert the claim of the ld. Counsel for the assessee that the issue in question is covered by the above cited decisions of the Hon'ble High Courts and the ITAT.

6. The ld. Departmental Representative relied on the judgment of the Hon'ble Supreme Court in the case of Securities and Exchange Board of India vs Rakhi Trading Private Ltd in Civil Appeal No. 1969 of 2011 with Civil Appeal Nos.3174-3177 of 2001 and Civil Appeal No.3180 of 2011. The ld. Counsel for the assessee submits that there is no surviving order of SEBI against the assessee or the company, the script of which was purchased and sold by the assessee. When there is no surviving adverse order of SEBI, against the claim of the assessee, the judgment of the Hon'ble Supreme Court cannot be applied to the facts of this case.

7. In view of the above discussion the addition in question is deleted. The consequential addition u/s 69C is also deleted. The appeal of the assessee is allowed.

8. In the result the appeal of the assessee is allowed.

Kolkata, the 5th day of October, 2018.

Sd/-

[J. Sudhakar Reddy] Accountant Member Dated : 05.10.2018 {SC SPS} 4 ITA No. 1217/Kol/2018 Assessment Year: 2014-15 U C Choudhary & Others HUF Copy of the order forwarded to:

1. Sneha Choudhary Room No. 308 3rd Floor 30, Bentick Street Kolkata - 700 001
2. Income Tax Officer, Ward-36(2), Kolkata
3. CIT(A)-
4. CIT- 15 ,
5. CIT(DR), Kolkata Benches, Kolkata.

True copy By order Senior Private Secretary Head of Office/ D.D.O. ITAT, Kolkata Benches